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Issues involved:
The judgment involves questions of law relating to the disallowance of interest paid on borrowed money to advance loans, the interrelation between interest payable and receivable, the nature of income receivable from advances made, and the set off of business loss against income for a subsequent year. Disallowed Interest on Borrowed Money: The assessee borrowed money to advance loans, which were subsequently written off. The Income-tax Officer disallowed a portion of the interest paid on the borrowed sum, citing that the loans written off lost their capacity to earn income. However, the Commissioner of Income-tax (Appeals) held that the loans were part of the money-lending business and allowed the interest paid on borrowed money. The Tribunal upheld the Commissioner's decision, emphasizing that the nature of income from the loans should not affect the liability to pay interest on borrowed amounts. Interrelation of Interest Payable and Receivable: The Tribunal found that the interest payable by the assessee to creditors and the interest received from debtors were not interrelated, thus justifying the exclusion of interest payable on the grounds of non-receipt of interest receivable. The Tribunal held that the Income-tax Officer and the Commissioner of Income-tax (Appeals) did not properly appreciate this aspect, leading to the deletion of the disallowance of interest paid on borrowed money. Nature of Income from Advances Made: The Tribunal determined that the nature of income receivable from advances made by the assessee should not impact the liability to pay interest to creditors. Despite the loans being written off, the assessee remained liable to pay interest to creditors, and thus, there was no justification for disallowing the interest on the borrowed amounts. The Tribunal upheld that the income derived from loans advanced should not affect the liability to pay interest to creditors. Set Off of Business Loss: In a separate issue for the assessment year 1981-82, the Tribunal upheld the decision to carry forward and set off a business loss against the income for the subsequent year, despite the Income-tax Officer's failure to do so initially. The Tribunal emphasized that it was within the assessing Income-tax Officer's discretion to determine the set off of losses for the relevant years, and the Commissioner of Income-tax (Appeals) correctly directed the carry forward and set off of the business loss. Conclusion: The High Court upheld the Tribunal's decisions on all issues, answering in favor of the assessee. The disallowance of interest paid on borrowed money, the interrelation of interest payable and receivable, and the nature of income from advances made were all considered in favor of the assessee. Additionally, the carry forward and set off of business loss against income for the subsequent year were deemed appropriate.
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